Fossil (Gibraltar) (State aid - State aid in the form of non-taxation of passive interest and royalty income - Opinion) [2022] EUECJ C-705/20_O (10 March 2022)

Fossil (Gibraltar) (State aid - State aid in the form of non-taxation of passive interest and royalty income - Opinion) [2022] EUECJ C-705/20_O (10 March 2022)

The set-off of tax paid in the United States on royalty income under section 37 of the ITA 2010 is not covered by Commission Decision (EU) 2019/700, does not constitute a circumvention of that decision, and does not amount to prohibited State aid under Article 107 TFEU, as it is a general measure to avoid double...

Source-derived case information.

Citation
[2022] EUECJ C-705/20_O
Parties
Appellant: Fossil (Gibraltar) Limited; Respondent: Commissioner of Income Tax
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (cjeu) / Opinion of Advocate General
Outcome
Neither Commission Decision (EU) 2019/700 nor Article 107 TFEU preclude the set-off of US tax paid on royalty income against Gibraltar tax under section 37 ITA 2010.
Legal Topics
State Aid Prohibition, Taxation of Royalty Income, Double Taxation Relief, Interpretation of Commission Decision (eu) 2019/700
European Union Law Tax Law State Aid State Aid Prohibition Taxation of Royalty Income Double Taxation Relief Interpretation of Commission Decision (eu) 2019/700

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 3 Authorities cited 15 Party arguments 2 Amounts and remedies 1
Sign in to unlock

Parties

Fossil (Gibraltar) Limited

Appellant

Commissioner of Income Tax

Respondent

Procedural Posture

Preliminary Ruling (cjeu) / Opinion of Advocate General

  1. 1 Does Commission Decision (EU) 2019/700 preclude Gibraltar from granting tax relief by way of set-off for tax paid in the United States on royalty income?
  2. 2 Does such set-off constitute prohibited State aid under Article 107 TFEU?
  3. 3 Does the set-off regime circumvent the Commission's decision on State aid?

Ratio Decidendi

The set-off of tax paid in the United States on royalty income under section 37 of the ITA 2010 is not covered by Commission Decision (EU) 2019/700, does not constitute a circumvention of that decision, and does not amount to prohibited State aid under Article 107 TFEU, as it is a general measure to avoid double taxation and is not selective or discriminatory.

Court Disposition

Neither Commission Decision (EU) 2019/700 nor Article 107 TFEU preclude the set-off of US tax paid on royalty income against Gibraltar tax under section 37 ITA 2010.